American Express Banking Corporation (India Branch) v. Assistant Director of Income Tax, Circle 1(1), International Taxation, New Delhi
Transfer pricing – intra group services
Case brief
What is this about?
Assessee challenged an ITAT order remanding determination of arm's length price for intra group services received from associated enterprises, after the TPO had fixed ALP at nil. The court held no substantial question of law arose and dismissed the appeal, noting the TPO must consider whether Section 92C(3) conditions are satisfied before making any adjustment.